Martinez, et al. v. Silveira

Filing 17

Joint STIPULATION and ORDER to Extend Deadlines of The Preliminary Scheduling and Discovery Order 16 signed by Magistrate Judge Gary S. Austin on 7/15/2010. Motion Hearing on Class Certification is RESET FOR 10/8/2010 at 09:30 AM in Courtroom 10 (GSA) before Magistrate Judge Gary S. Austin.(Esteves, C)

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Martinez, et al. v. Silveira Doc. 17 1 2 3 4 5 6 7 8 ESMERALDA ZENDEJAS, # 258809 BLANCA A. BAÑUELOS, # 231585 CALIFORNIA RURAL LEGAL ASSISTANCE, INC. 20 N. Sutter Street, Suite 203 Stockton, CA 95202 Telephone: (209) 946-0609 Facsimile: (209) 946-5730 MICHAEL MEUTER, # 161554 CALIFORNIA RURAL LEGAL ASSISTANCE, INC. 3 Williams Road Salinas, CA 93905 Telephone: (831) 757-5221 Facsimile: (831) 757-6212 Attorneys for Plaintiff Felipe Nuñez Torres 9 10 11 12 13 Attorneys for all Plaintiffs 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 Plaintiffs ANTONIO MARTÍNEZ and FELIPE NUÑEZ TORRES and Defendant JOSE GILBERTO SILVEIRA, through their counsel of record jointly request to this Court for an order extending the deadlines set forth in the Preliminary Scheduling and Discovery Order pursuant to Federal Rules of Civil Procedure § 16(b)(4). _____________________________________________ S t ip u la t io n and Order to Extend Deadlines of the Preliminary Scheduling and Discovery Order ERIN L. HERNÁNDEZ, # 257680 JULIA L. MONTGOMERY, # 184083 CALIFORNIA RURAL LEGAL ASSISTANCE FOUNDATION 2210 K Street, Suite 201 Sacramento, CA 95816 Telephone: (916) 446-7904 ext. 17 and 20 Facsimile: (916) 446-3057 UNITED STATES DISTRICT COURT FOR THE EASTERN DISTRICT OF CALIFORNIA ANTONIO MARTÍNEZ, and FELIPE NUÑEZ TORRES, Plaintiffs, v. JOSE GILBERTO SILVEIRA, an individual; and DOES ONE through TWENTY inclusive Defendants. Case No. 1:10-cv-00234-GSA JOINT STIPULATION AND ORDER TO EXTEND DEADLINES OF THE PRELIMINARY SCHEDULING AND DISCOVERY ORDER Dockets.Justia.com 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 On June 15, 2010, the parties appeared through their counsel before the Court for the scheduled preliminary conference. The Court set dates for class certification including: 1. 2. 3. A July 16, 2010 discovery cutoff for class certification; A July 30, 2010 deadline to file and serve moving papers on class certification; An August 13, 2010 deadline to file and serve opposition papers on class certification; 4. 5. An August 27, 2010 deadline to file and serve reply papers on class certification; and A hearing on September 10, 2010 at 9:30 a.m. in Department 10 (GSA) on the motion on class certification. Plaintiffs have requested discovery to Defendant pertaining to class certification. Given the current set discovery cutoff, Plaintiffs would not be able to review and compel documents, if necessary, that are not produced. Both parties agree that additional time is required to exchange and respond to discovery. Additionally, both parties agree that an extension of all deadlines enumerated above would not prejudice either party and would permit both parties an opportunity to fully complete discovery for class certification and file meaningful motions and responses regarding class certification. THE PARTIES STIPULATE AND SEEK AN ORDER THAT: Pursuant to Federal Rules of Civil Procedure § 16(b)(4), with good cause shown and with the judge's consent, all parties to this action jointly request that the Court permit the parties to extend the deadlines for class certification as follows: 1. 2. 3. An August 13, 2010 discovery cutoff for class certification; An August 27, 2010 deadline to file and serve moving papers on class certification; A September 10, 2010 deadline to file and serve opposition papers on class certification; 4. A September 24, 2010 deadline to file and serve reply papers on class certification; and 5. A hearing on October 8, 2010 at 9:30 a.m. in Department 10 (GSA) on the motion on class certification. _____________________________________________ S t ip u la t io n and Order to Extend Deadlines of the Preliminary Scheduling and Discovery Order 2 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 6i0kij IT IS SO STIPULATED. DATED: July 15, 2010 CALIFORNIA RURAL LEGAL ASSISTANCE INC. By: /s/ Esmeralda Zendejas Attorney for Plaintiff Felipe Nuñez Torres DATED: July 15, 2010 CALIFORNIA RURAL LEGAL ASSISTANCE FOUNDATION By: /s/ Erin Hernandez (signature authorized) Attorney for all Plaintiffs DATED: July 15, 2010 THE SAQUI LAW GROUP Counselors to Management By: /s/ Andrew H. Lee (signature authorized) Michael C. Saqui Attorneys for Silveira Dairy ORDER Through good cause shown pursuant to Federal Rules of Civil Procedure § 16(b)(4), and with this Court's consent, the parties joint stipulation and order to extend deadlines of the Preliminary Scheduling and Discovery order is granted. IT IS SO ORDERED. Dated: July 15, 2010 /s/ Gary S. Austin UNITED STATES MAGISTRATE JUDGE _____________________________________________ S t ip u la t io n and Order to Extend Deadlines of the Preliminary Scheduling and Discovery Order 3

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